Controlled foreign company and Default: Difference between pages

From ACT Wiki
(Difference between pages)
Jump to navigationJump to search
imported>Doug Williamson
m (Dead-end page - see also added 30/10/13)
 
imported>Doug Williamson
(Classify page.)
 
Line 1: Line 1:
(CFC).  
Failure to honour the terms of an agreement; for example a loan agreement.


''Tax''. 


A company which is resident outside the UK but which is controlled from the UK and therefore subject to UK CFC anti-avoidance tax rules.
== See also ==
 
* [[Acceleration]]
 
* [[Credit event]]
==See also==
* [[Cross default]]
* [[Double taxation]]
* [[Default fund]]
* [[Deletion]]
* [[Event of default]]
* [[Exposure At Default]]
* [[Forbearance]]
* [[Grace period]]
* [[Loss Given Default]]
* [[Loan agreement]]
* [[Materiality]]
* [[Non-performing loan]]


[[Category:Accounting,_tax_and_regulation]]
[[Category:Accounting,_tax_and_regulation]]
[[Category:The_business_context]]
[[Category:Identify_and_assess_risks]]
[[Category:Manage_risks]]
[[Category:Risk_frameworks]]
[[Category:Risk_reporting]]
[[Category:Financial_products_and_markets]]

Revision as of 12:32, 30 March 2020